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CMS’s 2009 Security Assessment Process

Author: Dinh, Angela K.

Source: Journal of AHIMA

Publication Date: September 2009


In 2008 the Centers for Medicare and Medicaid Services (CMS) conducted 10 HIPAA security assessments in covered entities (CEs) nationwide. CMS’s stated purpose was not to identify flaws but to gain a true understanding of industry compliance with the HIPAA security rule.

CMS co....

Clearing the HIPAA Cobwebs: New ONC Chief Privacy Officer Lucia Savage Focuses on Balancing Privacy and Security with Expanding Interoperable EHR Exchange

Author: Dimick, Chris

Source: Journal of AHIMA

Publication Date: April 2015



The spiders of time have been hard at work on the US healthcare privacy and security rules, to the point that their place in health IT interoperability has become fogged and is inhibiting their proper role in the meaningful exchange of health information, according to Lucia Savage, JD, th....

Reviewing the New HIPAA Rules

Author: Dimick, Chris

Source: AHIMA regulation analysis | Journal of AHIMA

Publication Date: March 2013



At 138 fine-print pages, the final rule detailing the HITECH Act’s modifications to HIPAA privacy and security requirements is not a quick or easy read. But it is an important read since the content of the Federal Register post drastically impacts HIM professionals and their business....

The New Privacy Officer

Author: Dimick, Chris

Source: Journal of AHIMA

Publication Date: April 2012



It has been a decade since the first privacy officers took their jobs in response to the HIPAA privacy rule. A slew of changes since then have added more responsibility, required more skills, and demanded more time of them than anyone could have imagined.

When Nancy Davis, R....

New Privacy Officer's Game Plan

Author: Dennis, Jill Callahan

Source: Journal of AHIMA

Publication Date: February 2001




The HIPAA-mandated privacy officer role offers a new opportunity for HIM professionals. What skills are required, and what needs to be done first? This article answers these questions.
As healthcare organizations roll out their plans for HIPAA implementation, many HIM profession....

HIPAA: Preemption of State Laws

Author: Demuro, Paul

Source: AHIMA Convention

Publication Date: October 10, 2001




I. Preemption of State Laws

The general rule is that a standard, requirement, or implementation specification adopted under HIPAA that is contrary to a provision of state law preempts or supersedes the provision of State law. 45 CFR §160.203.

Contrary, when used....

Lessons Learned from a Security Assessment

Author: Cummings, Judy

Source: HIPAA Conference 2000

Publication Date: March 14, 2000

2000 HIPAA Conference Presentation
Lessons Learned from a Security Assessment
Presented by Judy Cummings, Senior Manager, Strategic Development
Sharp Healthcare Information Systems Presentation Overview
After this presentation, you will know these things about a security assessm....

Kaiser Permanente Approach

Author: Cooper, Ted

Source: HIPAA Conference 2000

Publication Date: March 14, 2000

2000 HIPAA Conference Presentation
Organizing the Effort
Case Study: The Kaiser Permanente Approach
Presented by Ted Cooper, MD, National Director, Confidentiality & Security, Kaiser Permanente Kaiser Permanente
Kaiser Foundation Health Plan Kaiser Foundation Hospitals Region....

Updated Toolkit for Security Strategies

Author: Cooper, Ted

Source: Journal of AHIMA

Publication Date: July 2004


The first version of the Computer-based Patient Record Institute (CPRI) toolkit “Managing Information Security in Health Care” was published on the Web in May 1999 in response to the proposed HIPAA security and electronic signature standard of October 1998. The toolkit is intended....

New Tool Streamlines HIPAA Assessment Process

Author: Cohen, Kathleen

Source: In Confidence (newsletter)

Publication Date: August 02, 2003


How are you making sure that your organization is complying with the HIPAA privacy regulations? Many hospitals are doing HIPAA rounds with privacy officers, going from unit to unit to assess and document HIPAA compliance. But trying to make sense of the data collected during HIPAA rounds can....

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